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Case 2:22-cv-00828-CDS-BNW Document 15 Filed 06/17/22 Page 1 of 6
`
`Case 2:22-cv-00828-CDS-BNW Document 15 Filed 06/17/22 Page 1of6
`
`UNITED STATES DISTRICT COURT
`DISTRICT OF NEVADA
`
`2 3 4 5 6
`
`)
`Case #2:22-cv-00828-CDS-BNW
`g|ALLEGIANT TRAVEL COMPANY
`VERIFIED PETITION FOR
`)
`Plaintiff(s),
`)
`PERMISSION TO PRACTICE
`)
`IN THIS CASE ONLY BY
`)
`ATTORNEY NOT ADMITTED
`)
`TO THE BAR OF THIS COURT
`)
`AND DESIGNATION OF
`)
`LOCAL COUNSEL
`)
`)
`)
`
`
`
`FILING FEE IS $250.00
`
`vs,
`
`.
`R2 Solutions LLC
`Defendant(s).
`;
`
`H. Albert Liou
`(nameofpetitioner)
`
`, Petitioner, respectfully represents to the Court:
`
`I.
`
`That Petitioner is an attorney at law and a memberofthe law firm of
`
`with offices at
`
`Jones Day
`(firm name)
`
`717 Texas Ave. Suite 3300
`(street address)
`
`,
`
`Houston ,.77002, Texas ;
`
`
`
`
`(city)
`(state)
`(zip code)
`
`
`
`832-239-3828
`(area code + telephone number)
`
`,
`
`aliou@jonesday.com
`(Email address)
`
`2.
`
`That Petitioner has beenretained personally or as a memberofthe law firm by
`Allegiant Travel Company
`to provide legal representation in connection with
`[client(s)]
`
`the above-entitled case now pending before this Court.
`
`Rev. 5/16
`
`

`

`Case 2:22-cv-00828-CDS-BNW Document 15 Filed 06/17/22 Page 2 of 6
`
`Case 2:22-cv-00828-CDS-BNW Document 15 Filed 06/17/22 Page 2 of 6
`
`—CoODOFHNKHABRBHLY
`
`3.
`
`That since
`
`, Petitioner has been and presentlyis a
`
`11/7/2008
`(date)
`memberin good standing ofthe bar of the highest Court of the State of
`
`Texas
`(state)
`where Petitioner regularly practices law. Petitioner shall attach a certificate from the state bar or
`
`from the clerk of the supreme court or highest admitting court of eachstate, territory, or insular
`
`possession ofthe United States in which the applicant has been admitted to practice law certifying
`
`the applicant's membership therein is in good standing.
`
`4.
`
`That Petitioner was admitted to practice before the following United States District
`
`Courts, United States Circuit Courts of Appeal, the Supreme Court of the United States and Courts
`
`of other States on the dates indicated for each, and that Petitioner is presently a member in good
`
`standing of the bars of said Courts.
`
`Court
`
`Date Admitted
`
`Bar Number
`
`USCA- Federal Circuit
`
`
`USCA- Fifth Circuit
`
`2/20/2013
`
`4/27/2015
`
`USDC- Southern District of Texas
`
`
`8/6/2009
`
`USDC- Eastern District of Texas
`
`USDC- Western District of Texas
`
`
`12/28/2011
`
`4/24/2020
`
`N/A
`
`N/A
`
`975156
`
`N/A
`
`N/A
`
`5.
`
`Thatthere are or have been no disciplinary proceedingsinstituted againstpetitioner,
`
`nor any suspensionofany license, certificate or privilege to appear before any judicial, regulatory
`
`or administrative body, or any resignation or termination in order to avoid disciplinary or
`
`disbarment proceedings, except as described in detail below:
`None
`
`2
`
`Rev. 5/16
`
`

`

`Case 2:22-cv-00828-CDS-BNW Document 15 Filed 06/17/22 Page 3 of 6
`
`CoOCOHNDHABBwDPw
`
`Case 2:22-cv-00828-CDS-BNW Document15 Filed 06/17/22 Page 3 of 6
`
`6.
`
`That Petitioner has never been denied admission to the State Bar of Nevada. (Give
`
`particulars if ever denied admission):
`
`None
`
`None
`
`7.
`
`That Petitioner is a memberof goodstandingin the following Bar Associations.
`
`8.
`
`Petitioner has filed application(s) to appear as counsel under Local Rule JA 11-2
`
`(formerly LR IA 10-2) during the past three (3) years in the following matters:(State “none” if no applications.)
`
`Date of Application
`
`Cause
`
`None
`
`Title of Court
`Administrative Body
`or Arbitrator
`
`Was Application
`Granted or
`Denied
`
`
`
`(If necessary, please attach a statement of additional applications)
`
`9.
`
`Petitioner consents to the jurisdiction of the courts and disciplinary boards of the
`
`State of Nevada with respectto the law ofthis state governing the conductofattorneys to the same
`
`extent as a member of the State Bar of Nevada.
`
`10.
`
`Petitioner agrees to comply with the standards of professional conduct required of
`
`the membersof the barofthis court.
`
`11.
`
`Petitioner has disclosed in writing to the client that the applicant is not admitted to
`
`practice in this jurisdiction and that the client has consented to such representation.
`
`3
`
`Rev. $/16
`
`

`

`Case 2:22-cv-00828-CDS-BNW Document 15 Filed 06/17/22 Page 4 of 6
`
`Case 2:22-cv-00828-CDS-BNW Document15 Filed 06/17/22 Page 4 of 6
`
`That Petitioner respectfully prays that Petitioner be admitted to practice before this Court
`
`FOR THE PURPOSESOF THIS CASE ONLY.
`
`LCICAPetitioner’ssignature
`
`—_—
`)
`[EXAS
`stateor
`'
`COUNTY OF LEA Peis
`HH ALIZERT UiO U , Petitioner, being first duly sworn, deposes and says:
`Thatthe foregoingstatementsaretrue.
`| Mer ,
`
`— CoSoSSKHHHfFw&PL
`
`~Petitioner’ssignsignature
`
`Subscribed and sworn to before methis
`
`(>)
`A
`
`/
`
`Notary Public or Clerk
`
`Notary ID 8213890 blige
`ay,OMty,RSooa
`ee
`
`pour
`
`—_
`
`of Court
`
`SARA ANN MORELAND
`WpMn,
`@z Notary Public, State of Texas
`=
`= Comm.Expires 07-16-2025
`Rores
`
`DESIGNATION OF RESIDENT ATTORNEY ADMITTED TO
`THE BAR OF THIS COURT AND CONSENT THERETO.
`
`Pursuantto the requirements of the Local Rules of Practice for this Court, the Petitioner
`
`believesit to be in the bestinterests of the client(s) to designate
`
`Patrick H. Hicks
`(nameof local counsel)
`Attorney at Law, memberof the State of Nevada and previously admitted to practice before the
`
`,
`
`above-entitled Court as associate resident counselin this action. The address and email address of
`
`said designated Nevada counselis:
`
`LITTLER MENDELSON, P.C. 3960 Howard Hughes Parkway #300
`(street address)
`
`;
`
` Las Vegas
`(city)
`702-862-8800
`(area code + telephone number)
`
`,
`
`Nevada
`(state)
`phicks@littler.com
`(Email address)
`
`,
`
`89169
`(zip code)
`
`4
`
`Rev. 5/16
`
`

`

`Case 2:22-cv-00828-CDS-BNW Document 15 Filed 06/17/22 Page 5 of 6
`Case 2:22-cv-00828-CDS-BNW Document15 Filed 06/17/22 Page 5of6
`
`By this designation the petitioner and undersigned party(ies) agree that this designation constitutes
`
`agreementand authorization for the designated resident admitted counsel to sign stipulations
`
`binding on all of us.
`
`APPOINTMENT OF DESIGNATED RESIDENT NEVADA COUNSEL
`
`The undersigned party(ies) appoint(s)
`
`Patrick H. Hicks
`(nameof local counsel)
`his/her/their Designated Resident Nevada Counselin this case.
`
`as
`
`—eoOoSYDBDUHF&FYWWN
`
`(party's signature)
`
`Allegiant Travel Company,
`(type or print party name,title) ~
`
`(party's signature)
`
`(type or print party name,title)
`
`CONSENT OF DESIGNEE
`The undersigned hereby consents to serve as associate resident Nevada counselin this case.
`
`Designated Resident Nevada Counsel’s signature
`
`004632
`Bar number
`
`phicks@littler.com
`Email address
`
`APPROVED:
`
`
`
`June,20.22. Dated:this 17thosof
`
`5
`
`Rev. 5/16
`
`

`

`Case 2:22-cv-00828-CDS-BNW Document 15 Filed 06/17/22 Page 6 of 6
`
`Case 2:22-cv-00828-CDS-BNW Document15 Filed 06/17/22 Page 6 of 6
`
`
`
`Office ofthe ChiefDisciplinary Counsel
`
`May 24, 2022
`
`Re: Mr. How-Ying Albert Liou, State Bar Number 24061608
`
`To Whom It May Concer:
`
`This is to certify that Mr. How-Ying Albert Liou was licensed to practice law in Texas on November
`07, 2008, and is an active memberin good standing with the State Bar of Texas. "Good standing"
`meansthatthe attorney is current on payment of Bar dues; has met Minimum Continuing Legal
`Education requirements; and is not presently under either administrative or disciplinary suspension
`from the practice of law.
`
`This certification expires 30 days from the date, unless sooner revoked or renderedinvalid by
`operation of rule orlaw.
`
`Sincerely,
`
`Sone
`
`Seana Willing
`Chief Disciplinary Counsel
`SW/web
`
`
`
`

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